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	<title>Biz Op &#8211; FTC Guardian</title>
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	<title>Biz Op &#8211; FTC Guardian</title>
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		<title>How To Avoid FTC Biz Op Regulation</title>
		<link>https://www.ftcguardian.com/articles/how-to-avoid-ftc-biz-op-regulation/</link>
		
		<dc:creator><![CDATA[Allyn Cutts]]></dc:creator>
		<pubDate>Sun, 25 Jun 2017 23:25:07 +0000</pubDate>
				<category><![CDATA[Biz Op]]></category>
		<category><![CDATA[FTC Compliance]]></category>
		<category><![CDATA[Federal Trade Commission]]></category>
		<guid isPermaLink="false">https://www.ftcguardian.com/articles/?p=4960</guid>

					<description><![CDATA[How To Avoid FTC Biz Op Regulation By Chip Cooper, ESQ Effective on March 1, 2012, the FTC’s new Business Opportunity Rule (New Biz Op Rule) became effective. The Biz Op Rule applies to a specific type of offer defined &#8230;  ]]></description>
										<content:encoded><![CDATA[<h1>How To Avoid FTC Biz Op Regulation</h1>
<p>By Chip Cooper, ESQ</p>
<p>Effective on March 1, 2012, the FTC’s new Business Opportunity Rule (New Biz Op Rule) became effective.</p>
<p>The Biz Op Rule applies to a specific type of offer defined as a “Business Opportunity” (Biz Op).</p>
<p>The FTC’s objective with the New Biz Op rule was to make it very tough to make legally compliant Biz Op offers, particularly Biz Op offers that make earnings claims.</p>
<p>Because the New Biz Op Rule imposes numerous, detailed requirements, Internet marketers and online entrepreneurs should not offer Biz Ops.  Even with careful attention to all the requirements, it would still be relatively easy to inadvertently cross the line into non-compliance, and therefor huge exposure to liability.  In a nutshell, offering Biz Ops is a very high risk activity that should be avoided altogether.</p>
<p><a class="popup_SDLM" data-toggle="modal" data-target="#popup_SDLM_modal" href="#"><img decoding="async" src="/images/button_banner-SDLM.png" alt="" /></a></p>
<p><strong>Biz Op Defined</strong></p>
<p>The New Biz Op Rule stipulates three elements that must be satisfied for an offer to be a Biz OP.</p>
<ol>
<li>Solicitation For New Business Opportunity &#8211; a seller solicits a prospective purchaser to enter into a “new business” (i.e. a new line or type of business that the prospect is not currently engaged in);</li>
<li>“Required Payment” By Prospect – the prospect makes a payment, meaning all consideration paid by the prospect to the seller or an affiliate for the right to obtain or commence the operation of the business opportunity;</li>
<li>Business Assistance – the seller (or someone recommended by the seller) provides any of the following types of assistance:
<ul>
<li>Locations for the use or operation of equipment or other devices paid for by the prospect;</li>
<li>Outlets, accounts, or customers; or</li>
<li>Buy back promises for goods or services provided by the prospect.</li>
</ul>
</li>
</ol>
<p><strong>How To Avoid Biz Op Regulation</strong></p>
<p>The way to avoid regulation as a Biz Op is to not satisfy one of the three elements of a Biz Op under the New Biz Op Rule.  Remember, all three elements must be satisfied for a Biz Op to exist, so if you satisfy any two elements, but not three, you’ve avoided Biz Op regulation.</p>
<p>So, one way to avoid Biz Op regulation is to offer only educational and training services, and not offer a “new business”.  The FTC stated specifically that “general business advice and training” services are not included in the Biz OP definition.  However, some of the typical offers by Internet marketers and online marketers may come close</p>
<p>to crossing over from education and training to operation of a “new business”.</p>
<p>However, if you analyze the three Biz Op elements, elements 1 and 2 may be satisfied by some offers typically made by Internet marketers and online entrepreneurs.  With many offers there are “grey areas” with elements 1 and 2, where there’s no way to determine with confidence whether you’ve satisfied the element or not.</p>
<ul>
<li>For example, the “new business” requirement of Element 1 does not mean a person who has never been in business. The “new business” could be satisfied by an offer to an experienced business person if the offer presents a new line of business to the prospect.  Sellers generally have no way of knowing the present business status of prospects.</li>
<li>Another example: The “required payment” requirement of Element 2 may be satisfied by indirect payments through a third party.  Even if  you split a product into a free part and paid part, you’ll still satisfy the “required payment” requirement if the paid part is a “practical necessity” for obtaining or operating the business opportunity.</li>
</ul>
<p>So, due to the relative uncertainty regarding elements 1 and 2, the recommended approach is to focus on not satisfying element 3, thereby avoiding Biz Op regulation.</p>
<p><strong>Avoiding Element 3</strong></p>
<p>Element 3 should be your primary focus in avoiding Biz Op regulation.</p>
<p>The key is to avoid providing business assistance by not offering to provide locations (this applies primarily to offline businesses), outlets, accounts, customers, or buy back promises.</p>
<p><a href="http://go.ftcguardian.com/bw4uoy"><img decoding="async" src="https://s3.amazonaws.com/ftcguardian/images/728x90-Un-vjy-FTC-GUARDIAN-banner-2.gif" /></a></p>
<p>Remember, providing “general business advice and training” services is OK, but the prospect must be solely responsible for finding his/her own customers or other ways to monetize the purchase.</p>
<p><strong>Conclusion</strong></p>
<p>Offering Biz Ops is a very high risk activity that should be avoided altogether.</p>
<p>To avoid Biz Op regulation with confidence, understand the definition of Biz Op under the New Biz Op Rule, and be sure that you’ve not satisfied at least one of its three elements.</p>
<h2>Here’s How To Make Sure You, Your Business & Website Is FTC Compliant</h2>
<p>By now it should be clear how important it is for you to be FTC compliant. But how can you do that without spending $7,500-$8,000 or more on Internet Attorneys?</p>
<p>Smart business owners around the world are doing it with the help ofFTC Guardian.</p>
<p>FTC Guardian is a service that is 100% focused on helping to keep you get and stay FTC compliant and fully protected. <a href="https://go.ftcguardian.com/bw4uoy" target="_blank" rel="noopener noreferrer">And right now, we are offering a free training to give you the knowledge, information, and guidance that you need to stay out of trouble with the Federal Trade Commission.</a></p>
<p>The training is titled: <a href="https://go.ftcguardian.com/bw4uoy" target="_blank" rel="noopener noreferrer"><strong>3 Tragic (Legal) Privacy Policy List Building Mistakes That Can Get You In Hot Water With The FTC Today – Resulting In Your Business Being Shut Down… And How To Solve It!</strong></a></p>
<p>Here are some of the things you’ll discover on the training:</p>
<ul>
<li>Real-Life Examples of People Who Didn’t Think They Were At Risk, But Who Got Nailed By The FTC, And Why It Could Happen To You, Too</li>
</ul>
<ul>
<li>The 3 Enormous Powers The FTC Has That Can Change Your Life – And Your Family’s Life – Forever!</li>
</ul>
<ul>
<li>How to Avoid FTC Claims When Collecting Leads With Optin Forms</li>
</ul>
<ul>
<li>3 Privacy Policy Mistakes Every Digital Marketer Is Making, And Why You’re In The FTC Crosshairs.</li>
</ul>
<ul>
<li>And Much More…</li>
</ul>
<p><b>Remember: legal protection is a massively important part of your business, and it’s one you cannot afford to ignore any longer.</b></p>
<p><a href="https://go.ftcguardian.com/bw4uoy" target="_blank" rel="noopener noreferrer">Go here to register for our next FREE training and make your business is FTC compliant today!</a></p>
<p><b>Disclaimer:  This article is provided for informational purposes only. It’s not legal advice, and no attorney-client relationship is created. Neither the author nor FTC Guardian, Inc. is endorsed by the Federal Trade Commission.</b></p>
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			</item>
		<item>
		<title>Tragic (Legal) Mistake 3: FTC Biz Op Rules Takes On Earning Claims</title>
		<link>https://www.ftcguardian.com/articles/ftc-biz-op-rules-takes-on-earning-claims/</link>
		
		<dc:creator><![CDATA[Allyn Cutts]]></dc:creator>
		<pubDate>Mon, 14 Jul 2014 23:47:24 +0000</pubDate>
				<category><![CDATA[Biz Op]]></category>
		<category><![CDATA[FTC Compliance]]></category>
		<category><![CDATA[Federal Trade Commission]]></category>
		<category><![CDATA[FTC Claims]]></category>
		<guid isPermaLink="false">http://www.ftcguardian.com/?p=244</guid>

					<description><![CDATA[Tragic (Legal) Mistake 3: FTC Biz Op Rules Takes On Earning Claims By Chip Cooper, Esq. The New Biz Op Rule by the FTC applies to all fifty states, including the 25 states that did not already have a business &#8230;  ]]></description>
										<content:encoded><![CDATA[<h1>Tragic (Legal) Mistake 3: FTC Biz Op Rules Takes On Earning Claims</h1>
<p>By Chip Cooper, Esq.</p>
<p>The New Biz Op Rule by the FTC applies to all fifty states, including the 25 states that did not already have a business opportunity law. This means it applies to everyone with a business that meets its classification criteria, no matter where they operate within the U.S.</p>
<p><strong><span style="color: #000000;">What Does the New Biz Op Rule Do? </span></strong><br style="color: #000000;" /><br style="color: #000000;" /><span style="color: #000000;">First, the New Biz Op Rule alters the business opportunity seller’s disclosure form. On one hand, it streamlines the business opportunity disclosure form to a single page form with only five mandatory pieces of information. The disclosure agreement must be provided to the purchaser at least seven calendar days before the purchaser can sign it. The old rules said it was ten business days. The new FTC business opportunity disclosure document must include the seller’s identifying information, earnings claims if any, legal information about legal claims against the seller, the business’ refund and cancellation policies, and a list of the ten closest purchasers or all purchasers within the last three years. You are required by law to indicate whether the prior purchasers have a personal relationship with you, such as identifying prior purchasers who are family members. A business can check “no” if there is no refund or cancellation policy or no earnings claims. And you cannot use the old FTC Disclosure Statement, even if you’ve been using it for years. </span></p>
<p><a href="http://go.ftcguardian.com/bw4uoy" target="_blank" rel="noopener"><img decoding="async" src="https://s3.amazonaws.com/ftcguardian/images/728x90-Un-vjy-FTC-GUARDIAN-banner-2.gif" /></a><br style="color: #000000;" /><br style="color: #000000;" /><span style="color: #000000;">Secondly, the New Business Opportunity Rule expands the number of businesses that fall under the new business opportunity regulations. It has always applied to vending machines, payphones, internet kiosks and rack displays. The 2012 regulation expands the rule to include work at home schedules such as envelope stuffing, jewelry assembly and any system based on buying back goods or services the business opportunity buyer makes at home. The New Biz Op Rule does not cover franchisors that fall under the FTC Franchise Rule. It also excludes multi-level marketing companies. </span><br style="color: #000000;" /><br style="color: #000000;" /><span style="color: #000000;">Any business is subject to this rule if it: </span></p>
<ol>
<li>The seller has to solicit the purchaser to join the business opportunity. The rule doesn’t apply to business to business selling of products and services.</li>
<li>The rule only applies if the purchaser has to make a required payment to join the business opportunity. This may be a one time lump sum or an affiliate agreement where a portion of all sales go to the seller. The old rule said the regulations applied only if a payment of at least $50 was made in the first six months. The price limit and time frame have been eliminated in the new regulation. The rule does have an exception when the payments are for a reasonable amount of inventory for resale.</li>
<li>The rule applies when the summer provides any of three types of assistance.</li>
</ol>
<p style="padding-left: 90px;">a. Location<br />
The new rule applies if the business opportunity includes giving locations for the purchaser to use, such as vending machine locations or rack locations. It also applies if the purchaser gets to use the seller’s equipment like candy vending machines or DVD rental kiosks. Internet businesses fall under this rule when they have turn-key ecommerce sites, essentially providing an internet outlet or online business location for the purchaser.</p>
<p style="padding-left: 90px;">b. Buying Back Products or Services<br />
The New Biz Op Rule applies whenever the seller agrees to buy back products or services the buyer makes.</p>
<p style="padding-left: 90px;">c. Outlets or Accounts</p>
<p><br style="color: #000000;" /><span style="color: #000000;">The New Biz Op Rule applies if the seller gives the purchaser outlets, accounts or customers. This includes customer lists, stores through which they can sell the product and even online stores. For example, the New Biz Op Rule applies if someone teaches a medical transcriptionist course and sells with the business opportunity a list of doctors who use these services. </span><br style="color: #000000;" /><br style="color: #000000;" /><span style="color: #000000;">Furthermore, the list of prohibitions on sellers has grown. You cannot make earnings claims without identifying who is making the claim, the date of the claim, the actual earnings claim, the date range in which the earnings were achieved, what characteristics or traits allowed the top sellers to achieve these earnings and the percentage or number of people who actually earn that income level. You cannot make earnings claims that aren’t included in the Biz Op Disclosure Document or make earnings claims after checking “no” on the earnings claims section. You must provide written substantiation of earnings claims if either the purchaser or the Federal Trade Commission request it. </span><br style="color: #000000;" /><br style="color: #000000;" /><span style="color: #000000;"><strong>Why The Rule Changes Matter?</strong> </span><br style="color: #000000;" /><br style="color: #000000;" /><span style="color: #000000;">The seller has to prove they are compliant with the New Biz Op Rule. You have to be in compliance with it even if you don’t file the New Biz Op Disclosure Document with either the Federal Trade Commission or your state, if it has its own state level business opportunity regulations. </span><br style="color: #000000;" /><br style="color: #000000;" /><span style="color: #000000;">The complexity of the rules means that it is easy to accidentally become non-compliant. You should work with an attorney who specializes in business opportunities to become compliant or assist you if you may have fallen afoul of the law. </span></p>
<p><a class="popup_7TLM_Cheat_Sheet" data-toggle="modal" data-target="#popup_7TLM_Cheat_Sheet_modal" href="#"><img decoding="async" class="aligncenter" src="/images/button_banner-7TLM_Cheat_Sheet.png" alt="" /></a></p>
<p><br style="color: #000000;" /><span style="color: #000000;">If your business falls under the New Biz Op Rule and you don’t meet its requirements, your liability risk skyrockets. This is true even if you complied with the prior version of the rule or the interim version of the rule that was in effect through February, 2012. Failure to comply with the regulation allows the FTC to bring an action against you. Fortunately, the law doesn’t allow private individuals to sue you, though they may be able to sue under their state’s unfair and deceptive practices act. </span><br style="color: #000000;" /><br style="color: #000000;" /><span style="color: #000000;">The end result of the New Biz Op Rule changes is that you have to comply with the regulation or risk massive liability in either lawsuits or FTC fines – or redesign your business to avoid falling under the Biz Op regulation. </span><br style="color: #000000;" /><br style="color: #000000;" /><strong><span style="color: #000000;">How to Avoid the New Biz Op Regulation </span></strong><br style="color: #000000;" /><br style="color: #000000;" /><span style="color: #000000;">One way to avoid the Biz Op Regulation is to not meet any of the New Biz Op Rule criteria. For example, instead of offering a new business, only offer educational services to help them identify products for sale and how to market them. Now your business is a sales and training service provider, not a new business opportunity. </span><br style="color: #000000;" /><br style="color: #000000;" /><span style="color: #000000;">The surest way to avoid falling under the New Business Opportunity regulation is to not provide locations, outlets, accounts, customers or buyback promises. </span></p>
<p><span style="color: #000000;">This means that you cannot provide business leads to purchasers. However, the Federal Trade Commission does say it is OK if you provide general advice on business development. If you teach purchasers how to find leads and they find their own leads, then you don’t fall under the rule. If you aid purchasers in creating an ecommerce website with the functionality to generate leads that regularly convert into paying customers and then offer training in how to increase the conversion rate, you do not fall under the Biz Op rule. </span></p>
<p><span style="color: #000000;">The best way to avoid non-compliance with the regulation is to make the purchaser responsible for finding their own customers or devising their own ways to monetize the purchase. </span><br style="color: #000000;" /><br style="color: #000000;" /><strong><span style="color: #000000;">Conclusion </span></strong><br style="color: #000000;" /><br style="color: #000000;" /><span style="color: #000000;">You must be careful not to fall under the Business Opportunity Rule. Accidentally offering business opportunities for sale ensures non-compliance, because you weren’t trying to offer a biz op. You can avoid this problem by designing your business to not fall under these regulations. You should avoid offering a business opportunity unless you have proper legal advice from an attorney familiar with the new regulations.</span></p>
<p><img decoding="async" class="alignleft size-full wp-image-264" src="http://www.ftcguardian.com/articles/wp-content/uploads/2014/07/Learn_More.jpg" alt="Learn_More" width="147" height="35" /></p>
<h2></h2>
<h2>Here’s How To Make Sure You, Your Business & Website Is FTC Compliant</h2>
<p>By now it should be clear how important it is for you to be FTC compliant. But how can you do that without spending $7,500-$8,000 or more on Internet Attorneys?</p>
<p>Smart business owners around the world are doing it with the help of FTC Guardian.</p>
<p>FTC Guardian is a service that is 100% focused on helping to keep you get and stay FTC compliant and fully protected. <a href="https://go.ftcguardian.com/bw4uoy" target="_blank" rel="noopener noreferrer">And right now, we are offering a free training to give you the knowledge, information, and guidance that you need to stay out of trouble with the Federal Trade Commission.</a></p>
<p>Free Compliance Workshop: <a href="https://go.ftcguardian.com/bw4uoy" target="_blank" rel="noopener"><strong>Join Chip Cooper, Esq., the #1 FTC Compliance trainer in the World, for a one-of-kind, completely free online compliance workshop. Workshops fill up quickly, so register now.</strong></a></p>
<p>Here are some of the things you’ll discover on the training:</p>
<ul>
<li>Real-Life Examples of People Who Didn’t Think They Were At Risk, But Who Got Nailed By The FTC, And Why It Could Happen To You, Too</li>
</ul>
<ul>
<li>The 3 Enormous Powers The FTC Has That Can Change Your Life – And Your Family’s Life – Forever!</li>
</ul>
<ul>
<li>How to Avoid FTC Claims When Collecting Leads With Optin Forms</li>
</ul>
<ul>
<li>3 Privacy Policy Mistakes Every Digital Marketer Is Making, And Why You’re In The FTC Crosshairs.</li>
</ul>
<ul>
<li>And Much More…</li>
</ul>
<p><b>Remember: legal protection is a massively important part of your business, and it’s one you cannot afford to ignore any longer.</b></p>
<p><a href="https://go.ftcguardian.com/bw4uoy" target="_blank" rel="noopener noreferrer">Go here to register for our next FREE training and make your business is FTC compliant today!</a></p>
<p><b>Disclaimer:  This article is provided for informational purposes only. It’s not legal advice, and no attorney-client relationship is created. Neither the author nor FTC Guardian, Inc. is endorsed by the Federal Trade Commission.</b></p>
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